Disclaimer: This content is intended for general educational and informational purposes only. It should not be interpreted as legal advice, medical advice, or official regulatory guidance. Laws, board policies, and enforcement practices may change, and interpretations can vary based on specific facts and circumstances. Clinics and providers should confirm current requirements directly with the North Carolina Medical Board and the North Carolina Board of Pharmacy, and consult qualified healthcare legal counsel before making operational or compliance decisions.
Executive Summary
- Medical directors must be North Carolina licensed MDs or DOs. NPs and PAs require written collaboration or supervisory arrangements to prescribe weight loss medications.
- Written collaboration or supervision agreements should address communication protocols, consultation and referral procedures, and quality oversight plans that include chart or case review and periodic review meetings.
- North Carolina telehealth standards require a valid practitioner-patient relationship, appropriate documentation, and a standard of care equivalent to in-person treatment.
- Controlled substances such as phentermine require DEA registration, North Carolina Controlled Substances Reporting System checks, and heightened documentation and monitoring.
- GLP-1 medications such as semaglutide and tirzepatide are not controlled substances but remain subject to pharmacy oversight and evolving federal and state guidance.
- Medical decision-making must remain under physician authority. Nonphysician business entities may provide administrative services but may not direct clinical care.
- North Carolina Medical Board: Oversees physician practice, delegation, prescribing, and telemedicine standards.
- North Carolina Medical Practice Act: Establishes the statutory framework for the practice of medicine and professional discipline.
- North Carolina Board of Pharmacy: Regulates dispensing, compounding, and advertising of medications such as phentermine and GLP-1 agents, including semaglutide and tirzepatide.
- Corporate practice principles: Limit nonphysician control over medical decision-making and clinical oversight.
Quick Compliance Checklist
Weight loss clinics and telehealth programs in North Carolina must align clinical oversight, prescribing, and advertising with board expectations. Use this checklist as a recurring internal audit:
- Clinical services operate under a structure that preserves physician control over medical decision-making, with business operations handled separately where appropriate.
- Medical director is a North Carolina licensed MD or DO in good standing and actively involved in supervision and quality oversight.
- Written collaboration or supervision arrangements support NP and PA prescribing for weight loss medications.
- Chart or case reviews and quality oversight meetings are conducted and documented on a consistent schedule.
- Telehealth workflows, including patient evaluation, video visits when required, e-prescribing, and recordkeeping, meet standards of care and board guidance.
- DEA registration and North Carolina Controlled Substances Reporting System compliance are maintained for controlled medications such as phentermine.
- Pharmacy sourcing, compounding, labeling, and advertising for GLP-1 medications comply with Board of Pharmacy and federal requirements.
- Marketing materials avoid unsupported claims, exaggerated results, or language suggesting unlicensed individuals provide medical treatment.
The Legal Frame: CPOM and Who Can Be a Medical Director
Under North Carolina corporate practice principles, nonphysicians may not practice medicine or exercise control over medical judgment. This generally means:
- A physician must retain authority over clinical services, including diagnosis, treatment plans, prescribing, and supervision of licensed staff.
- A separate management or administrative entity may handle nonclinical functions such as staffing support, leasing space, marketing, and billing, but it may not direct medical decisions.
Failure to maintain this separation can lead to regulatory scrutiny, board discipline, or other enforcement action.
Who Can Be a Medical Director?
Delegation and Prescriptive Authority: Documents That Matter
Delegation of Medical Acts
Collaboration and Supervisory Agreements
Prescribing by NPs and PAs must be supported by written collaboration or supervisory arrangements that reflect actual practice. These agreements typically address:
- Scope of authorized services and prescribing activity, including weight loss medications such as GLP-1 agents or phentermine
- Consultation and referral expectations
- Physician accessibility and communication processes
- Emergency coverage
- Ongoing quality oversight, such as chart or case review
These documents should remain current and align with how care is delivered in practice.
Delegation Limits
Weight Loss Clinics — What North Carolina Requires
Who Can Prescribe Weight Loss Medications?
- MD or DO: May prescribe within the scope of their North Carolina license and standard of care.
- NP or PA: May prescribe under a written collaboration or supervisory arrangement that reflects scope of practice and physician oversight.
- RNs, estheticians, and nutritionists: Cannot prescribe medications.
Phentermine and Other Controlled Substances
- Requires active DEA registration.
- Prescribers must check the North Carolina Controlled Substances Reporting System before issuing controlled prescriptions.
- Clinical documentation should support medical necessity, treatment rationale, and appropriate follow-up.
- Prescribing patterns should reflect individualized evaluation rather than uniform or template-based protocols.
GLP-1 Medications and Similar Agents
- Not federally scheduled, but prescribing must meet the standard of care and appropriate patient evaluation requirements.
- If compounded medications are used, sourcing must comply with federal and North Carolina Board of Pharmacy requirements.
- NPs and PAs may prescribe when authorized under their collaboration or supervision arrangements.
IV Therapy, Supplements, and Adjunct Services
Advertising Standards
- Marketing must accurately reflect licensure and supervision.
- Avoid exaggerated or unsupported outcome claims.
- Advertising should not imply that unlicensed individuals provide medical treatment or independent medical care.
Telehealth in North Carolina — Compliance Standards
Practitioner–Patient Relationship
- A valid practitioner–patient relationship must be established through an appropriate clinical evaluation conducted in person or via real-time audiovisual technology.
- Online forms or questionnaires alone are not sufficient to support diagnosis or prescribing.
- The standard of care for telehealth must be equivalent to in-person treatment.
Medical Board Telehealth Expectations
- Document patient identity, informed consent, clinical assessment, and treatment plan.
- E-prescribing is permitted when consistent with federal and state law and the applicable standard of care.
- Medical records must be securely maintained and accessible for physician oversight and review.
Delegation in Telehealth
- Written collaboration or supervisory arrangements should address telehealth services and remote prescribing.
- Escalation procedures should be defined for urgent or high-risk situations, including psychiatric or medication-related concerns.
- Supervising physicians must have timely remote access to records for quality oversight.
Telehealth Weight Loss Prescribing
- GLP-1 medications may be prescribed via telehealth when proper evaluation and documentation support medical necessity.
- Controlled substances such as phentermine require active DEA registration and CSRS review prior to prescribing.
- Best practice includes at least one in-person or real-time video visit before initiating controlled medications.
Psychiatry & Mental Health Clinics
Many telehealth weight loss clinics overlap with psychiatric prescribing, including appetite suppressants or medications with misuse potential. In these cases, similar compliance expectations apply:
- Collaboration or supervision agreements should clearly outline authorized drug classes.
- Quality oversight should be strengthened for controlled substances.
- Emergency escalation procedures must be documented.
FAQs
Can a nurse practitioner run a weight loss clinic in North Carolina?
Can GLP-1 medications be prescribed via telehealth?
Is prescribing phentermine allowed via telemedicine?
Do collaboration or supervision agreements need to list specific drugs?
Psychiatry & Mental Health Clinics
Operating a compliant weight loss or telehealth clinic in North Carolina requires more than physician placement. Medical Director Co. provides structured oversight and compliance support designed for outpatient practices:
- North Carolina Licensed Physicians: Matched to your clinic’s services, including weight management, telehealth, psychiatry, and general outpatient care.
- Collaboration and Supervision Support: Written frameworks reflecting prescribing authority, communication pathways, escalation procedures, and quality oversight expectations.
- Quality Oversight Systems: Chart review schedules, meeting templates, and documentation tracking tools to support ongoing compliance.
- Telehealth Guidance: Support for practitioner-patient relationship standards, e-prescribing workflows, documentation, and record access expectations.
- Medication Compliance Insight: Operational guidance for controlled substances such as phentermine and non-controlled agents such as GLP-1 medications, including sourcing and advertising considerations.
- Practice Structure Review: Evaluation of management and governance arrangements to maintain physician control over clinical decision-making.
Areas We Serve
Who We Serve
We provide Medical Director and Collaborating Physician services for:
- Nurse Practitioners (NPs): Support with collaboration requirements, prescribing oversight, and regulatory compliance aligned with North Carolina Board of Nursing and Medical Board expectations.
- Registered Nurses (RNs): Physician oversight for launching medspas, weight loss clinics, and wellness practices, with structured delegation and protocol development.
- Physician Assistants (PAs): Supervision frameworks, prescribing alignment, and compliance guidance consistent with North Carolina supervision standards.
- Estheticians in Medical Spas: Physician-approved protocols and oversight structures that support safe delivery of advanced aesthetic treatments within an appropriate scope.
North Carolina Resources and References
- North Carolina Medical Board — Board Rules and Position Statements
- North Carolina Medical Practice Act — Practice of Medicine Statutes
- North Carolina Medical Board — Telemedicine and Prescribing Guidance
- North Carolina Board of Nursing — APRN Scope of Practice and Prescribing Standards
- North Carolina Board of Pharmacy — Compounding, Dispensing, and Advertising Rules
- North Carolina Controlled Substances Reporting System — Controlled Substance Monitoring

Bolton M. Harris, J.D., is a seasoned attorney with a formidable background in criminal law and a focus on healthcare law and compliance. As the in-house legal counsel at Medical Director Co., Harris brings a unique blend of prosecutorial experience and regulatory expertise to support healthcare professionals across Texas. Her career spans roles as a prosecutor in multiple counties and now as a trusted advisor on the legal intricacies of medical practice operations.
Education & Early Career
Bolton Harris completed her undergraduate studies at Southern Methodist University (SMU) in 2013. During her time at SMU, she was not only a dedicated student but also a competitive athlete on the university’s women’s swimming team. She went on to earn her Juris Doctor from Texas A&M University School of Law in 2016 and became a member of the Texas Bar that same year. Armed with a strong academic foundation and discipline honed as a student-athlete, Harris embarked on a career in criminal law immediately after law school.
Prosecutorial Experience in Texas
Bolton Harris began her legal career in public service as a criminal prosecutor. She served as an Assistant District Attorney in multiple jurisdictions, where she quickly rose through the ranks and handled a broad spectrum of cases. Some highlights of her prosecutorial career include:
- Assistant District Attorney, Dallas County, Texas: Prosecuted a high volume of criminal cases in one of the state’s busiest DA offices, gaining extensive trial experience in both misdemeanor and felony courts.
- Assistant District Attorney, Ellis County, Texas: Continued to hone her courtroom advocacy skills, known for meticulous case preparation and a tenacious pursuit of justice on behalf of the community.
- Assistant District Attorney, Navarro County, Texas: Broadened her legal expertise by handling diverse criminal matters in a smaller county, working closely with law enforcement and community leaders to uphold the law.
Through these roles, Harris built a reputation for being a tough but fair advocate. She brought numerous cases to trial and developed an in-depth understanding of the criminal justice system. This distinguished prosecutorial background laid a strong foundation for the next phase of her career in the private sector.
Healthcare Law & Compliance at Medical Director Co.
After her tenure as a prosecutor, Harris shifted her focus to healthcare law, applying her legal acumen to the medical field. She recognized that the same attention to detail and tenacity that served her in criminal law could benefit healthcare providers navigating complex regulations. Embracing this new direction, Harris became well-versed in the intricate laws governing medical practices – from licensing requirements to patient safety and privacy standards – and is passionate about helping practitioners stay compliant.
In her current role as the in-house attorney for Medical Director Co., Bolton Harris oversees all legal and compliance matters for the organization and its clients. Medical Director Co. is a nurse-owned firm that connects nurse practitioners (NPs), physician assistants (PAs), and registered nurses with qualified medical directors and collaborating physicians, offering fast placements and comprehensive compliance support for healthcare practices. Harris ensures that each of these partnerships and clinical ventures adheres to all applicable state and federal laws. She is responsible for drafting and reviewing collaborative practice agreements, advising on regulatory requirements, and providing ongoing legal counsel as clients establish and grow their clinics. Drawing on her prosecutorial eye for risk management, Harris proactively identifies potential legal issues and addresses them before they escalate, giving healthcare professionals peace of mind.
Bolton M. Harris’s multifaceted expertise – spanning high-stakes courtroom litigation to detailed healthcare compliance – makes her a formidable legal ally. Whether advocating in front of a jury or guiding a medical practice through regulatory hurdles, she remains committed to the highest standards of the legal profession. Her blend of courtroom-tested skill and healthcare law knowledge ensures that clients of Medical Director Co. receive elite-level counsel and steadfast protection in an ever-evolving legal landscape.